The phrase "money laundering" covers all procedures to conceal the origins of criminal proceeds so that they appear to originate from a legitimate source. Ideal Capital Group LTD ("Company") aims to detect, manage, and mitigate the risks associated with money laundering and the financing of terrorism. The Company has introduced strict policies aimed at detection, risk prevention, or mitigation in respect of any suspicious activities performed by customers. The Company is required to constantly monitor its level of exposure to the risk of money laundering and the financing of terrorism. The Company believes that if it knows its client well and understands its instructions thoroughly, it will be better placed to assess risks and spot suspicious activities.
Effective Customer Due Diligence ("CDD") measures are essential to the management of money laundering and terrorist financing risk. CDD means identifying the customer and verifying their true identity on the basis of documents, data, or information both at the moment of starting a business relationship with the customer and on an ongoing basis. The customer identification and verification procedures require, first, the collection of data and, second, attempts to verify that data.
During the Ideal Capital Group LTD Portal registration process, individual customers provide the following identification information to the Company:
During the Ideal Capital Group LTD Portal registration process, corporate customers provide the following identification information to the Company:
After receiving the identification information, the Company's staff should verify this information by requesting the appropriate documents.
Appropriate documents for verifying the identity of customers include, but are not limited to, the following:
To verify proof of address of the customer, the Company requires one of the following to be provided, in the same correct name of the customer:
When making a funds deposit or funds withdrawal via credit/debit card, a customer is required to provide a scanned copy or photo of the credit/debit card (front and back side). The front side of the credit/debit card should show the cardholder's full name, the expiry date, and the first six and the last four digits of the card number (the rest of the digits may be covered). The copy or scan of the reverse side of the credit/debit card should show the cardholder's signature, but the CVC2/CVV2 code must be masked.
If an existing customer either refuses to provide the information described above or if a customer has intentionally provided misleading information, the Company, after considering the risks involved, will consider closing any of an existing customer's account.
The Regulations measures require further research and identification of customers who may pose a potentially high risk of money laundering/terrorism financing. If the Company has assessed that the business relationship with a customer poses a high risk, it will apply the following additional measures:
When obtaining information to verify the customer's statements about the source of funds or wealth, the Company's staff will most often ask for and scrutinize details of the person's employment status or business/occupation. The Company's staff will ask for whatever additional data or proof of that employment/occupation that may be deemed necessary in the situation, particularly the appropriate confirming documents (employment agreements, bank statements, letter from employer or business, etc.
The Company will conduct ongoing customer due diligence and account monitoring for all business relationships with customers. It particularly involves regularly reviewing and refreshing the Company's view of what its customers are doing, the level of risk they pose, and whether anything is inconsistent with information or beliefs previously held about the customer. It can also include anything that appears to be a material change in the nature or purpose of the customer's business relationship with the Company.
Additional Due diligence will be required with Clients who deposit by Cryptocurrency. A screenshot of the client wallet must be provided, where it can be confirmed the wallet address and name of the customer.
A continuous monitoring of transactions must be performed in order to ensure regulatory compliance, identification of suspicious activities, and risk management.
The Company shall appoint an AML Compliance Officer, who will be fully responsible for the Company's AML and CFT program and report to the Board of the Company or a committee thereof any material breaches of the internal AML policy and procedures and of the Regulations, codes, and standards of good practice.
AML Compliance Officer's responsibilities include:
All Company employees, managers, and directors must be aware of this policy. Employees, managers, and directors who are engaged in AML-related duties must be suitably vetted. This includes a criminal check done at the time of employment and monitoring during employment. Any violation of this policy or an AML program must be reported in confidence to the AML Compliance Officer, unless the violation implicates the AML Compliance Officer, in which case the employee must report the violation to the Chief Executive Officer.
Employees who work in areas that are susceptible to money laundering or financing terrorism schemes must be trained in how to comply with this policy or the AML program. This includes knowing how to be alert to money laundering and terrorism financing risks and what to do once the risks are identified.
The Company provides AML training to employees who will be dealing with customers or will be involved in any AML checking, verification, or monitoring processes. The Company may conduct its training internally or hire external third-party consultants.
Each person employed within the Company is assigned a supervisor who teaches him or her in relation to all policies, procedures, customer documentation forms and requirements, forex markets, trading platforms, etc. There is a training plan for each new employee and tests which are being held for 2-3 months (depending on level within the business).
The Company's AML training programs are aimed to ensure its employees receive appropriate training levels with regards to any possible AML/TF risks.
The Company's AML and risk awareness training includes the following content:
Version: 16/10/2024
Ideal Capital Group LTD 2024 جميع الحقوق محفوظة بواسطة